Part 4, Lecture 5

Download Report

Transcript Part 4, Lecture 5

Constitutional Law
Part 4: The Federal Judicial Power
Lecture 5: Justiciability – Ripeness
Ripeness
• Ripeness is the determination of whether a matter is
premature for review because the injury is speculative
and may never occur.
– Standing is concerned with who may bring a case, and
ripeness is concerned with when a case may be brought.
• In effect, ripeness usually means that people cannot
challenge the legality of a statute or regulation until they
are prosecuted for violating it.
– Is this fair?
o It might incentivize people to break the law if that is the only way
to find out whether the law is validly enforceable.
o It could also unnecessarily chill conduct by making people comply
with laws that are actually unconstitutional.
Constitutional Law – Professor David Thaw
Part 4 Lecture 5
Slide 2
Rationale for Ripeness
• In spite of these fairness concerns, the ripeness
doctrine may still be justified because it:
– advances separation of powers by avoiding judicial review
in situations where it is unnecessary for the federal courts
to become involved because there is not a substantial
hardship to postponing review
– prevents the courts from entangling themselves in abstract
disagreements
– enhances judicial economy by limiting the occasion for
federal court jurisdiction and the expenditure of judicial
time and revenues
– enhances the quality of judicial decision making by
ensuring that there is an adequate record to permit
effective review
Constitutional Law – Professor David Thaw
Part 4 Lecture 5
Slide 3
Abbott Laboratories v. Gardner (1967)
Background:
• The Federal Food, Drug, and Cosmetic Act
requires manufacturers of prescription drugs
to print the established name of the drug
prominently on labels and other printed
material.
• A group of drug manufacturers challenged the
Act as exceeding the Food and Drug
Administration’s authority.
Constitutional Law – Professor David Thaw
Part 4 Lecture 5
Slide 4
Abbott Laboratories v. Gardner
Issue: Is the case ripe until a drug company was
prosecuted for violating the regulation?
• Two part test for ripeness:
1. Evaluate the hardship to the parties of
withholding court consideration and
2. The fitness of the issues for judicial decision
Constitutional Law – Professor David Thaw
Part 4 Lecture 5
Slide 5
Abbott Laboratories v. Gardner
Holding: The controversy satisfies the requirement for
ripeness even though it is a pre- enforcement review.
• As to the first part of the test, the Court concluded that the
issue was currently fit for judicial decision.
– “The issues presented are appropriate for judicial resolution at
this time . . . The issue tendered is purely a legal one.” (CB 84)
• For the second part, the Court said that there would be a
substantial hardship on the parties if they denied preenforcement review.
– “[T]he impact of the regulations upon the petitioners is
sufficiently direct and immediate . . . either they must comply
with the [label] requirement and incur the costs . . . or they
must follow their present course and risk prosecution . . .[for]
serious and criminal and civil penalties.” (CB 85)
Constitutional Law – Professor David Thaw
Part 4 Lecture 5
Slide 6